By now, you probably have heard of or encountered some form of artificial intelligence (“AI”), which appears to be rapidly expanding globally. AI's application in tax preparation also seems to be growing. With growth, comes growing pains and learning curves; even though using AI to analyze vast volumes of tax data has advantages in terms of reducing human error, recognizing patterns, and increasing efficiency. The intriguing aspect of the learning curve, as it relates to tax preparation, is that AI most depends on access to data pools which present security challenges and additional levels of complexity. Additionally, research shows that there are different types of AI models, including generative, limited, reactive, natural language, narrow, speech recognition, reinforcement, etc. which should be considered when determining how it will best serve tax clients.
As AI continues to develop, so too must tax professionals and their plans for using it; it must be done securely, accurately, responsibly, and encrypted, with internal security measures in place to keep data safe. Once this has been established, use of AI will enhance client relationships, assist tax professionals in identifying consequences sooner, modernize internal processes, lower errors, and increase the overall effectiveness of services rendered to clients. This is not to suggest that tax professionals' valuable labor and expertise may be replaced by AI. Perhaps, to some extent, AI can open the door for tax professionals to concentrate on higher-value tasks while leaving the mundane tasks to AI.
The use and protection of AI in the tax professional world is no doubt a hot issue to be considered upon thoughtful review and in conjunction with the relevant and evolving professional standards and codes of conduct determined by state and local regulatory and licensing bodies, including, but not limited to, the AICPA, State Bar, American Bar Association, IRS Office of Professional Responsibility and Circular 230.
To find out more about how Wilson Tax Law Group, could help with your tax litigation and defense needs, we invite you to set up a consultation with our firm.
Wilson Tax Law Group, APLC is a boutique Orange County tax controversy law firm that specializes in representation of individuals and businesses before federal and state tax authorities with audits, appeals, FBAR, offshore compliance, litigation and criminal defense. Firm founder, Joseph P. Wilson, is a former Federal tax prosecutor and trial attorney for the IRS and California Franchise Tax Board. Wilson Tax Law Group is comprised of former IRS litigators & Special Agents, and Assistant US Attorneys from the US Attorney’s Office, Central District of California, Tax Division, which at the time handled both civil tax lawsuits and criminal tax prosecutions on behalf of the United States of America.
For further information, or to arrange a consultation please contact: Wilson Tax Law Group, APLC
Tel: (949) 397-2292 (Newport Beach Office)
Tel: (714) 463-4430 (Yorba Linda Office)
The Newport Beach Tax Attorney blog is dedicated to tax issues serving Orange County and Southern California. Posts cover recent news and tax cases including audits, tax litigation, IRS, and cryptocurrency tax issues. For more on the Orange County Tax Attorney Joseph P. Wilson, visit https://www.wilsontaxlaw.com or 949.397.2292
The Interception of AI and the Tax Sector – What You Need to Know
The Interception of AI and the Tax Sector – What You Need to Know
By now, you probably have heard of or encountered some form of artificial intelligence (“AI”), which appears to be rapidly expanding globally. AI's application in tax preparation also seems to be growing. With growth, comes growing pains and learning curves; even though using AI to analyze vast volumes of tax data has advantages in terms of reducing human error, recognizing patterns, and increasing efficiency. The intriguing aspect of the learning curve, as it relates to tax preparation, is that AI most depends on access to data pools which present security challenges and additional levels of complexity. Additionally, research shows that there are different types of AI models, including generative, limited, reactive, natural language, narrow, speech recognition, reinforcement, etc. which should be considered when determining how it will best serve tax clients.
As AI continues to develop, so too must tax professionals and their plans for using it; it must be done securely, accurately, responsibly, and encrypted, with internal security measures in place to keep data safe. Once this has been established, use of AI will enhance client relationships, assist tax professionals in identifying consequences sooner, modernize internal processes, lower errors, and increase the overall effectiveness of services rendered to clients. This is not to suggest that tax professionals' valuable labor and expertise may be replaced by AI. Perhaps, to some extent, AI can open the door for tax professionals to concentrate on higher-value tasks while leaving the mundane tasks to AI.
The use and protection of AI in the tax professional world is no doubt a hot issue to be considered upon thoughtful review and in conjunction with the relevant and evolving professional standards and codes of conduct determined by state and local regulatory and licensing bodies, including, but not limited to, the AICPA, State Bar, American Bar Association, IRS Office of Professional Responsibility and Circular 230.
To find out more about how Wilson Tax Law Group, could help with your tax litigation and defense needs, we invite you to set up a consultation with our firm.
Wilson Tax Law Group, APLC is a boutique Orange County tax controversy law firm that specializes in representation of individuals and businesses before federal and state tax authorities with audits, appeals, FBAR, offshore compliance, litigation and criminal defense. Firm founder, Joseph P. Wilson, is a former Federal tax prosecutor and trial attorney for the IRS and California Franchise Tax Board. Wilson Tax Law Group is comprised of former IRS litigators & Special Agents, and Assistant US Attorneys from the US Attorney’s Office, Central District of California, Tax Division, which at the time handled both civil tax lawsuits and criminal tax prosecutions on behalf of the United States of America.
For further information, or to arrange a consultation please contact: Wilson Tax Law Group, APLC
Tel: (949) 397-2292 (Newport Beach Office)
Tel: (714) 463-4430 (Yorba Linda Office)
Use of NOL Deductions for Corporate & Individual Taxpayers – Suspended
Recently passed legislation in California, under Senate Bill 175 - Taxation, might preclude some corporate and individual taxpayer claims for NOL deductions in 2024 beginning on January 1, 2024 and before January 1, 2027. This suspension may affect those California corporate and individual taxpayers who have a net or modified adjusted gross income greater than $1 million. This is not the first time that California has suspended or limited claims for NOL deductions. Additionally, this legislation places an annual $5 million cap on the utilization of income tax credits, including the California pass-through entity elective tax credit. For any income tax credit that is prohibited due to this annual limitation, there is an additional carryover period that is equivalent to the number of taxable years that the credit was denied.
It is unclear as to whether the Governor of California will end the NOL deduction suspension and annual tax limitation sooner than January 1, 2027 as it depends on the state revenue meets required minimums.
To find out more about how Wilson Tax Law Group, could help with your tax litigation and defense needs, we invite you to set up a consultation with our firm.
Wilson Tax Law Group, APLC is a boutique Orange County tax controversy law firm that specializes in representation of individuals and businesses before federal and state tax authorities with audits, appeals, FBAR, offshore compliance, litigation and criminal defense. Firm founder, Joseph P. Wilson, is a former Federal tax prosecutor and trial attorney for the IRS and California Franchise Tax Board. Wilson Tax Law Group is comprised of former IRS litigators & Special Agents, and Assistant US Attorneys from the US Attorney’s Office, Central District of California, Tax Division, which at the time handled both civil tax lawsuits and criminal tax prosecutions on behalf of the United States of America.
For further information, or to arrange a consultation please contact: Wilson Tax Law Group, APLC
Tel: (949) 397-2292 (Newport Beach Office)
Tel: (714) 463-4430 (Yorba Linda Office)
Use of NOL Deductions for Corporate & Individual Taxpayers – Suspended
Recently passed legislation in California, under Senate Bill 175 - Taxation, might preclude some corporate and individual taxpayer claims for NOL deductions in 2024 beginning on January 1, 2024 and before January 1, 2027. This suspension may affect those California corporate and individual taxpayers who have a net or modified adjusted gross income greater than $1 million. This is not the first time that California has suspended or limited claims for NOL deductions. Additionally, this legislation places an annual $5 million cap on the utilization of income tax credits, including the California pass-through entity elective tax credit. For any income tax credit that is prohibited due to this annual limitation, there is an additional carryover period that is equivalent to the number of taxable years that the credit was denied.
It is unclear as to whether the Governor of California will end the NOL deduction suspension and annual tax limitation sooner than January 1, 2027 as it depends on the state revenue meets required minimums.
To find out more about how Wilson Tax Law Group, could help with your tax litigation and defense needs, we invite you to set up a consultation with our firm.
Wilson Tax Law Group, APLC is a boutique Orange County tax controversy law firm that specializes in representation of individuals and businesses before federal and state tax authorities with audits, appeals, FBAR, offshore compliance, litigation and criminal defense. Firm founder, Joseph P. Wilson, is a former Federal tax prosecutor and trial attorney for the IRS and California Franchise Tax Board. Wilson Tax Law Group is comprised of former IRS litigators & Special Agents, and Assistant US Attorneys from the US Attorney’s Office, Central District of California, Tax Division, which at the time handled both civil tax lawsuits and criminal tax prosecutions on behalf of the United States of America.
For further information, or to arrange a consultation please contact: Wilson Tax Law Group, APLC
Tel: (949) 397-2292 (Newport Beach Office)
Tel: (714) 463-4430 (Yorba Linda Office)
Wilson Tax Law Group, APLC, welcomes new Legal Administrator, Christine Wilbur
Please join us in welcoming Christine Wilbur to the Wilson Tax Law Group! We are very excited to have Christine on the team. She brings a wealth of experience from her notable career, with over fourteen years of experience providing legal management solutions, strategic creativity and human resources support to various law firms located throughout Orange County. Please connect with her today with any questions and she will be happy to assist you.
#Welcome #newemployee #WTLGrocks #strategicpartner
Business Tax Alert – Improper Employee Retention Credit Claims
While the IRS continues its expansive efforts to deny of improper Employee Retention Credit (ERC) claims, intensifying audits and pursuing civil and criminal investigations of potential fraud and abuse, there are several options that may still be available for those businesses who wish to resolve these matters to avoid these possible consequences. Recently, the IRS announced the details of a second employee retention credit Voluntary Disclosure program (ERC-VDP) for employers who claimed and received an ERC refund for a tax period in 2021 but were not eligible. Like the first ERC-VDP, the program will allow claimants to repay ERC at a reduced rate of 85% of the credit; this is slightly less favorable than the original ERC-VDP that allowed employers to repay 80% of their credits. Applications to participate in the second ERC-VDP will be accepted only until Nov. 22, 2024. The further benefits of the second program waive penalties and interest on the full amount, not just the 85% returned. The 15% reduction is not taxable as income and the IRS won’t examine (audit) ERC on your employment tax return for tax period(s) resolved within the terms of the second ERC-VDP. You also don’t need to repay any interest you received on your ERC refund. To qualify accepted applicants must execute a closing agreement confirming that they are not entitled to ERC and will be required to provide the name and contact information for any preparer or advisor who assisted in claiming the ERC. Additionally, the IRS released five more red flag issues they are regularly seeing in newly processed ERC claims; the agency recommends that businesses whose claims fall into any of these warning sign categories consider participating in the second ERC-VDP or the ERC Withdrawal Program.
To find out more about how Wilson Tax Law Group, could help with your tax litigation and defense needs, we invite you to set up a consultation with our firm.
Wilson Tax Law Group, APLC is a boutique Orange County tax controversy law firm that specializes in representation of individuals and businesses before federal and state tax authorities with audits, appeals, FBAR, offshore compliance, litigation and criminal defense. Firm founder, Joseph P. Wilson, is a former Federal tax prosecutor and trial attorney for the IRS and California Franchise Tax Board. Wilson Tax Law Group is comprised of former IRS litigators & Special Agents, and Assistant US Attorneys from the US Attorney’s Office, Central District of California, Tax Division, which at the time handled both civil tax lawsuits and criminal tax prosecutions on behalf of the United States of America.
For further information, or to arrange a consultation please contact: Wilson Tax Law Group, APLC
Tel: (949) 397-2292 (Newport Beach Office)
Tel: (714) 463-4430 (Yorba Linda Office)
Business Tax Alert – Improper Employee Retention Credit Claims
While the IRS continues its expansive efforts to deny of improper Employee Retention Credit (ERC) claims, intensifying audits and pursuing civil and criminal investigations of potential fraud and abuse, there are several options that may still be available for those businesses who wish to resolve these matters to avoid these possible consequences. Recently, the IRS announced the details of a second employee retention credit Voluntary Disclosure program (ERC-VDP) for employers who claimed and received an ERC refund for a tax period in 2021 but were not eligible. Like the first ERC-VDP, the program will allow claimants to repay ERC at a reduced rate of 85% of the credit; this is slightly less favorable than the original ERC-VDP that allowed employers to repay 80% of their credits. Applications to participate in the second ERC-VDP will be accepted only until Nov. 22, 2024. The further benefits of the second program waive penalties and interest on the full amount, not just the 85% returned. The 15% reduction is not taxable as income and the IRS won’t examine (audit) ERC on your employment tax return for tax period(s) resolved within the terms of the second ERC-VDP. You also don’t need to repay any interest you received on your ERC refund. To qualify accepted applicants must execute a closing agreement confirming that they are not entitled to ERC and will be required to provide the name and contact information for any preparer or advisor who assisted in claiming the ERC. Additionally, the IRS released five more red flag issues they are regularly seeing in newly processed ERC claims; the agency recommends that businesses whose claims fall into any of these warning sign categories consider participating in the second ERC-VDP or the ERC Withdrawal Program.
To find out more about how Wilson Tax Law Group, could help with your tax litigation and defense needs, we invite you to set up a consultation with our firm.
Wilson Tax Law Group, APLC is a boutique Orange County tax controversy law firm that specializes in representation of individuals and businesses before federal and state tax authorities with audits, appeals, FBAR, offshore compliance, litigation and criminal defense. Firm founder, Joseph P. Wilson, is a former Federal tax prosecutor and trial attorney for the IRS and California Franchise Tax Board. Wilson Tax Law Group is comprised of former IRS litigators & Special Agents, and Assistant US Attorneys from the US Attorney’s Office, Central District of California, Tax Division, which at the time handled both civil tax lawsuits and criminal tax prosecutions on behalf of the United States of America.
For further information, or to arrange a consultation please contact: Wilson Tax Law Group, APLC
Tel: (949) 397-2292 (Newport Beach Office)
Tel: (714) 463-4430 (Yorba Linda Office)
Recent Federal Court Decision: Texas Top Cop Shop, Inc., et al. v. Garland, et al.
Our clients should be aware of a recent ruling in Texas Top Cop Shop, Inc., et al. v. Garland, et al., Case No. 4:24-cv-478 (E.D. Tex. ), wh...
-
For all those Jersey Shore fans, television personality Michael 'The Situation' Sorrentino and his brother Marc Sorrentino appeared ...
-
Just like the IRS, the California Franchise Tax Board (FTB) also has a program to allow one spouse to be relieved of existing joint liabilit...
-
Just like the IRS, the California Franchise Tax Board (FTB) also has a program to allow one spouse to be relieved of existing joint liabilit...